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This case pertains to the utilization of ineligible CENVAT credit by a company. The key points are: The...

This case pertains to the utilization of ineligible CENVAT credit by a company. The key points are: The company availed ineligible CENVAT credit amounting to Rs. 1,30,84,835/- which was not permissible under the CENVAT Credit Rules, 2004. As per Section 73 of the Finance Act, 1994, a show-cause notice for non-payment of service tax must be issued within 18 months, extendable to 5 years in case of fraud, misstatement or suppression of facts. The company had disclosed all relevant information regarding CENVAT credit availed in its ST-3 returns. The Commissioner alleged misstatement and contravention with intent to evade tax, which the High Court found perverse as the show-cause notice did not mention willful misstatement or suppression. The S..... .....

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